Eight Keys to Developing an OIG Compliance Program for Hospitals | Oberheiden P.C.
Improper inducements, kickbacks, and self-referrals Of course, every hospital will have different risk areas, and it is important to address these matters with specificity in a compliance program. Often, management can obtain some guidance from other hospitals; however, it is imperative that a hospital create a compliance program that is custom-tailored to its specific obligations. 3. Naming a Compliance Officer or Contact Person After assessing all risk areas and developing a compliance strategy, the next step is to designate a chief compliance officer, or several employees who will oversee ...